The USDA organic label is supposed to protect the consumer against GMOs and avoidable chemical exposures, but the sobering fact is that USDA-certified infant formula manufacturers are not only being allowed to use a pesticide in their formulas, but are advertising it as a ‘healthy’ mineral to unsuspecting consumers.

Unbeknownst to the vast majority of U.S. consumers, the nutritional adequacy of infant formula it not determined by its ability to support and produce health in those who receive it, as would be expected. Instead, it is deemed nutritionally adequate solely by virtue of it containing minimum quantities of a list of 29 nutrients, without specifying or even acknowledging the significant qualitative differences that exist between minerals in the form of nutrients and those in the form of industrial chemicals, e.g. amino acid-chelated forms of iron (iron glycinate) are much safer than relatively inorganic forms (ferrous oxide). Surprisingly, all that regulators do is ensure that those ingredients are there in the amounts deemed necessary, and that some basic quality control measures are followed during the manufacturing process.

Infant formula, like no other food, is regulated by its own law, the Infant Formula Act of 1980 as amended in 1986. The act sets lower limits on 29 nutrients (so-called “table nutrients” because they appear in table form. U.S. Code of Federal Regulations 21 CFR 107.100). . . . Manufacturers are required to follow “good manufacturing practice,” but no requirement for sterility is specified. . . . Powdered formula is not guaranteed nor required to be free of pathogenic organisms (Baker, 2002).